Myer Franks LTD and Standard Oil Company of British Columbia Limited v. Her Majesty the Queen, [1974] CTC 128, 74 DTC 6121 -- text

Sheppard, DJ:—The issue is whether the plaintiff Myer Franks Ltd “produced or manufactured in Canada” within paragraph 27(1 )(a) of the Excise Tax Act so as to be liable to pay sales tax of 12%

The International Nickel Company of Canada Limited v. Her Majesty the Queen, [1974] CTC 116, 74 DTC 6096 -- text

Urie, J:—The plaintiff herein appeals to this Court from the reassessment for income tax by the Minister of National Revenue for the years 1967 and 1968, wherein he deducted from the plaintiff’s profits attributable to the production of prime metal from

First Pioneer Petroleums Ltd. v. MNR, 74 DTC 6109, [1974] CTC 108 (FCTD) -- text

Mahoney, J:—This is an appeal from a decision of the Tax Appeal Board, as it then was, confirming the respondent’s assessment of the appellant’s corporation income tax for its 1965 and 1966 taxation years on the ground that the corporation income

The Queen v. Canadian-American Loan and Investment Corp. Ltd., 74 DTC 6104, [1974] CTC 101 (FCTD) -- text

Cattanach, J:—This is an appeal from a decision of the Tax Appeal Board (now the Tax Review Board) dated August 14, 1972 whereby the defendant’s appeal to that Board from its assessment to income tax for its 1967 taxation year by the Minister

Attorney General of Canada v. The Canadian Imperial Bank of Commerce, Workmen’s Compensation Board and Confidential Acceptance LTD, [1974] CTC 97 -- text

Rowbotham, J:—This action comes before me pursuant to an order of the Master in Chambers made in response to an application by the Sheriff of Calgary for interpleader relief.

The Honourable the Minister of Finance for the Province of British Columbia v. First National Bank of Nevada, Executor of the Estate of the Late Hugh Herbert Wolfenden, [1974] CTC 92, 74 DTC 6130 -- text

Ritchie, J (concurred in by the Chief Justice and Pigeon, J):— I agree with the reasons for judgment prepared for delivery by Mr Justice Laskin, but I am unable to partake of the view expressed by Mr Justice Spence and the majority of

General Trust of Canada, in Its Quality as Testamentary Executor of the Estate of the Late Félix Goyer* v. Minister of National Revenue*, [1974] CTC 73, 74 DTC 6068 -- text

Walsh, J:—This action concerns liability for succession duty, and the valuation for succession duty purposes of a property in Côte St-Luc, being Lot No 101 of the cadastre of the Parish of Montreal, and is governed by the provisions of the

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